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Why so many sexual harassment cases in US, not UK? | Why so many sexual harassment cases in US, not UK? |
(35 minutes later) | |
There are huge differences between UK and US media law - does this explain why more Americans are being accused of sexual harassment? | There are huge differences between UK and US media law - does this explain why more Americans are being accused of sexual harassment? |
On 5 October, Harvey Weinstein was accused of sexual abuse and the dam broke. | On 5 October, Harvey Weinstein was accused of sexual abuse and the dam broke. |
Since then, dozens of well-known Americans have been accused of sexual misconduct of some kind. This isn't drip-drip. It's a flood. | Since then, dozens of well-known Americans have been accused of sexual misconduct of some kind. This isn't drip-drip. It's a flood. |
The list includes film stars such as Kevin Spacey, politicians such as Roy Moore, and journalists such as Mark Halperin. | The list includes film stars such as Kevin Spacey, politicians such as Roy Moore, and journalists such as Mark Halperin. |
The deluge of allegations swelled this week, engulfing big media names. | |
While people in other countries have also been accused, the majority of cases are American. | While people in other countries have also been accused, the majority of cases are American. |
One reason could be US media law and how it differs from other countries. | One reason could be US media law and how it differs from other countries. |
In the UK, there is a key point in libel law that explains a lot. | In the UK, there is a key point in libel law that explains a lot. |
When someone sues, they don't have to prove the story is wrong. | When someone sues, they don't have to prove the story is wrong. |
The publisher - for example, the newspaper or website - has to prove their story is right. | The publisher - for example, the newspaper or website - has to prove their story is right. |
This means, before publishing, the media needs a water-tight case. To accuse someone of sexual misconduct, they would normally need proof (such as a recording) or a witness prepared to testify in court. | This means, before publishing, the media needs a water-tight case. To accuse someone of sexual misconduct, they would normally need proof (such as a recording) or a witness prepared to testify in court. |
In cases of sexual misconduct, both things are hard to find. | In cases of sexual misconduct, both things are hard to find. |
There were, for example, rumours of Jimmy Savile's sexual abuse for years. Louis Theroux even asked Savile about them in 2000. | There were, for example, rumours of Jimmy Savile's sexual abuse for years. Louis Theroux even asked Savile about them in 2000. |
But the British media - worried about being sued - didn't publish. It wasn't until Savile died that ITV broke the story (in UK law, a dead person cannot be defamed). | But the British media - worried about being sued - didn't publish. It wasn't until Savile died that ITV broke the story (in UK law, a dead person cannot be defamed). |
You don't even need to name someone to be sued in the UK. | You don't even need to name someone to be sued in the UK. |
In 2012, BBC Newsnight wrongly linked Lord McAlpine to child sex abuse, without naming him. | In 2012, BBC Newsnight wrongly linked Lord McAlpine to child sex abuse, without naming him. |
He sued and within 13 days won £185,000 in damages. | He sued and within 13 days won £185,000 in damages. |
Defamation in the UK - the main defences | Defamation in the UK - the main defences |
In the US, it's far harder to sue for libel. The reason is 226 years old, but as relevant as ever. | In the US, it's far harder to sue for libel. The reason is 226 years old, but as relevant as ever. |
The first amendment to the US constitution - adopted in 1791 - protects freedom of speech and freedom of the press. | The first amendment to the US constitution - adopted in 1791 - protects freedom of speech and freedom of the press. |
It means American media law is "radically different" to the UK, says Stuart Karle, a professor at Columbia Journalism School in New York and former general counsel for the Wall Street Journal. | It means American media law is "radically different" to the UK, says Stuart Karle, a professor at Columbia Journalism School in New York and former general counsel for the Wall Street Journal. |
"In the US, the burden is on the plaintiff - the person alleging that he or she has been defamed - to prove the statement is false," he says. | "In the US, the burden is on the plaintiff - the person alleging that he or she has been defamed - to prove the statement is false," he says. |
So - compared to the UK - the burden of proof is flipped. Americans are less likely to sue, so US media are more likely to break the story. | So - compared to the UK - the burden of proof is flipped. Americans are less likely to sue, so US media are more likely to break the story. |
Indeed, a New York Times editorial in May said "hardly anyone jousts with the (New York) Times when it comes to formally asserting libel". | Indeed, a New York Times editorial in May said "hardly anyone jousts with the (New York) Times when it comes to formally asserting libel". |
And - for celebrities - there's another hurdle to clear when suing in the US. | And - for celebrities - there's another hurdle to clear when suing in the US. |
When a public official (such as a government employee) or public figure (such as a celebrity) sues for libel, they must prove "actual malice". | When a public official (such as a government employee) or public figure (such as a celebrity) sues for libel, they must prove "actual malice". |
"Actual malice basically means the journalist lied," says Professor Karle. | "Actual malice basically means the journalist lied," says Professor Karle. |
"Either the journalist published a story they knew was false - or they acted with reckless disregard over whether it was true or false. | "Either the journalist published a story they knew was false - or they acted with reckless disregard over whether it was true or false. |
"That basically means - you lied." | "That basically means - you lied." |
But - despite the bar being higher - it doesn't mean American media has carte blanche. And, when they do get it wrong, it can cost millions of dollars. | But - despite the bar being higher - it doesn't mean American media has carte blanche. And, when they do get it wrong, it can cost millions of dollars. |
In 2014, Rolling Stone magazine covered an alleged gang rape at the University of Virginia in 2012. | In 2014, Rolling Stone magazine covered an alleged gang rape at the University of Virginia in 2012. |
The story was retracted in 2015 and a university official - who handled sexual assault cases - sued for defamation. She was awarded $3m in damages. | The story was retracted in 2015 and a university official - who handled sexual assault cases - sued for defamation. She was awarded $3m in damages. |
Further back, a prosecutor sued the Philadelphia Inquirer over articles published in 1973. He won $34m. | Further back, a prosecutor sued the Philadelphia Inquirer over articles published in 1973. He won $34m. |
"Sometimes you hear 'in the United States, reputation isn't valued'," says Professor Karle. | "Sometimes you hear 'in the United States, reputation isn't valued'," says Professor Karle. |
"But the US laws are highly protective of reputation. The damages can be massive - far, far greater than one could get in the UK. | "But the US laws are highly protective of reputation. The damages can be massive - far, far greater than one could get in the UK. |
"So you have more (defamation) cases in the UK and more stories that aren't published or broadcast. | "So you have more (defamation) cases in the UK and more stories that aren't published or broadcast. |
"But in the US, if a plaintiff wins, the potential damages are in the millions - or tens of millions." | "But in the US, if a plaintiff wins, the potential damages are in the millions - or tens of millions." |
For this reason - and for reasons of good journalism - American media often goes to great lengths to verify accusations. | For this reason - and for reasons of good journalism - American media often goes to great lengths to verify accusations. |
In their recent story about television presenter Charlie Rose, the Washington Post spoke to eight women - three of them on the record. | In their recent story about television presenter Charlie Rose, the Washington Post spoke to eight women - three of them on the record. |
In breaking the story about comedian Louis CK, the New York Times reported accusations from five women - four of them named. | In breaking the story about comedian Louis CK, the New York Times reported accusations from five women - four of them named. |
And - in an article about New York Times reporter Glenn Thrush - Vox writer Laura McGann recounted her own experience, interviewed three other women, and spoke to 40 people in the wider media. | And - in an article about New York Times reporter Glenn Thrush - Vox writer Laura McGann recounted her own experience, interviewed three other women, and spoke to 40 people in the wider media. |
Which system is better - the UK or the US - depends on your point of view. | Which system is better - the UK or the US - depends on your point of view. |
If you've been wrongly accused, you may yearn for the British system - where publishing is riskier. | If you've been wrongly accused, you may yearn for the British system - where publishing is riskier. |
If you're a victim, you may prefer the US system - where the constitution protects freedom of speech. | If you're a victim, you may prefer the US system - where the constitution protects freedom of speech. |
Either way, the effect is clear. | Either way, the effect is clear. |
The US has a flood of cases. In the UK, it remains drip-drip. | The US has a flood of cases. In the UK, it remains drip-drip. |
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